EFTA01974548.pdf
dataset_10 PDF 193.1 KB • Feb 4, 2026 • 2 pages
To: Jeffrey Epsteinpeevacation mail.com
Cc: Kirschner, El
From: McCaffrey, Carl
Sent Mon 11/19/2012 5:19:36 AM
Subject RE:
Dear Jeff,
Here's an outline of the plan you and I have been discussing. It's still in the preliminary stage and
needs some additional analysis including a section 2701 analysis
Step I — You think it would be preferable to arrange for a set of trustees who have no relationship
to LB.
Step 2- Reorganize BFP into two classes of partnership interests, Class A and Class B. The
holders of Class A would have the right to receive all BFP profits that are attributable to
operating income from the original relevant companies for a period of time to end at the death of
LB.. The holders of Class B would have the right to all other profits and to the existing capital
accounts of BFP.
Step 3 — LB agrees to repay the 2006 Family Trust an amount equal to excess distributions he has
received from 2006 Family Trust
Step 4 — The 2006 Family Trust decants its Class B interests in BFP and all other assets other
than its Class A BFP interests to a new 2012 Family Trust.
Step 5 - The 2006 Family Trust is amended to give LB the right to assign his interest in the trust.
Step 6 — LB assigns his interest in the 2006 Family Trust to a GRAT.
Best,
Carlyn
Carlyn S. McCaffrey I Partner
EFTA_R1_004 59525
EFTA01974548
McDermott Will & Eme LLP New York, NY 10173
wwwmwe corn
From: Jeffrey Epstein [mailto:jeevacation@gmail.com]
Sent: Sunday, November 18, 2012 1:17 PM
To: McCaffrey, Carlyn
Subject:
it would be very helpful for you to write a here are the following steps memp/ trustees, chanve,
set up new part „ amend trust, decant trust, . repair faulty valutations document. . gift tax
trusts debra and kids, new will. etc. thanks, I would like it for tomorw nights meeting with
halperin.. as you can see i don't type often
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